The tax dispute between PT Matra Roda Piranti (PT MRP) and the Directorate General of Taxation (DGT) focuses on the legality of the VAT Taxable Base (DPP) correction for the August 2020 Tax Period amounting to IDR 268,053,385.00. The Respondent utilized audit techniques of accounts receivable and goods flow testing based on SE-02/PJ.7/2003 to conclude unreported deliveries, subsequently extrapolating these findings. The core conflict lies in the DGT's use of the extrapolation method, which the Taxpayer considers a mere assumption, given that VAT is an objective tax that must be based on actual transaction events (delivery of Taxable Goods/Services).
The Applicant firmly refuted the correction, arguing that all deliveries had issued Tax Invoices and were reported in the Tax Returns. The Applicant emphasized that VAT corrections must not be based on mathematical calculations of cash flows without supporting physical evidence of goods delivery or unreported invoices. Conversely, the Respondent insisted that the discrepancy in the goods flow test indicated hidden turnover.
In its resolution, the Board of Judges stated that VAT is a tax imposed on each factual delivery transaction. The use of extrapolation methods and flow testing without concrete transaction evidence (unrecorded invoices) does not meet the requirements of strong evidentiary support under Article 12 paragraph (3) of the KUP Law. The Board found that the Applicant's accounting data was synchronized with its tax reports, thus rendering the Respondent's basis for correction legally void.
The implication of this decision reaffirms that tax authorities cannot carry out VAT corrections based solely on indirect methods such as accounts receivable flow tests if they are unable to provide specific transaction evidence that constitutes a taxable object. For Taxpayers, PT MRP's victory provides an important precedent regarding the need for consistency between accounts receivable ledgers and tax reporting to debunk auditor assumptions.
In conclusion, the Board of Judges fully granted the Applicant's appeal because the Respondent's correction was not supported by competent evidence and was based only on calculation assumptions.
A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here